DT 99-013 HYPERION COMMUNICATIONS OF NEW HAMPSHIRE Petition for CLEC Authority Order Granting Motion for Protective Order O R D E R N O. 23,189 April 6, 1999 On March 2, 1999, Hyperion Communications of New Hampshire, Inc. (Hyperion), filed with the New Hampshire Public Utilities Commission (Commission) a petition for authority to provide switched and non-switched local exchange telecommunications services pursuant to RSA 374:22-g. In support of the filing, on the same date, Hyperion filed its proformed income statement for the next three years, along with a Motion for Confidential Treatment seeking to exempt the income statement from disclosure, pursuant to RSA 91-A and N.H. Admin. Rule Puc 204.06. Pursuant to Puc 204.05(b), documents submitted to the Commission or Commission Staff accompanied by a motion for confidentiality are protected as provided in 204.06(d) until the Commission rules on the Motion for Confidential Treatment. In its motion, Hyperion states that the income statement constitutes competitively sensitive information (Confidential Information), the release of which would cause harm to the Company's business interest and provide no general benefit to the public. Therefore, Hyperion claims, the Confidential Information is within the "confidential, commercial or financial information" exemptions from disclosure set forth in RSA 91-A:5,IV and N.H. Admin. Rules, Puc 204.06. Hyperion avers that the Confidential Information is regularly protected from disclosure or dissemination in the company's ordinary course of business and is not generally in the public knowledge or published elsewhere. We find that Hyperion's Confidential Information meets the requirements of N.H. Admin. Rule Puc 204.06 (b) and (c). Based on the company's representations, under the balancing test we have applied in prior cases, e.g.,Re New England Telephone Company (Auditel), 80 NHPUC 437 (1995); Re Bell Atlantic, DE 97-171 (SGAT) Order No. 22,851 (February 17, 1998); Re HarvardNet, Order No. 23,093(December 21, 1998), we find that the benefits to Hyperion of non-disclosure in this case outweigh the benefits to the public of disclosure. The Confidential Information should be exempt from public disclosure pursuant to RSA 91-A:5,IV and N.H. Admin. Rule 204.06. Based upon the foregoing, it is hereby ORDERED, that Hyperion's Motion for Confidential Treatment is GRANTED; and it is FURTHER ORDERED, that this Order is subject to the ongoing rights of the Commission, on its own motion or on the motion of Staff, any party or any other member of the public, to reconsider this Order in light of RSA 91-A, should circumstances so warrant. By order of the Public Utilities Commission of New Hampshire this sixth day of April, 1999. Douglas L. Patch Susan S. Geiger Nancy Brockway Chairman Commissioner Commissioner Attested by: Thomas B. Getz Executive Director and Secretary